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Stradley Ronon Stevens & Young, LLP
2005 Market Street, Suite 2600
Philadelphia, PA 19103
Telephone 215.564.8000
Fax 215.564.8120
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Subject:
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Amendment to Delaware Floating Rate Fund on Form N-1A
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(File Nos. 002-37707/811-02071)
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1.
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Comment: In the first sentence under “What are the Fund’s fees and expenses?” in the Fund’s Prospectus on page 1, change the reference to “if you buy and hold
shares of the Fund” to “if you buy, hold, and sell shares of the Fund”.
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2.
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Comment: Please provide completed fee table and expense example in correspondence.
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Class A
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C
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R
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Inst.
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R6
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Maximum sales charge (load) imposed on purchases as a percentage of offering price . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .
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2.75%
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none
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none
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none
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none
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Maximum contingent deferred sales charge (load) as a percentage of original purchase price or redemption price, whichever is lower . . . . . . . . . .
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none
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1.00%1
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none
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none
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none
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Annual fund operating expenses (expenses that you pay each year as a percentage of the value of your investment)
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Class A |
C |
R |
Inst. |
R6 |
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Management fees . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .
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0.50%
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0.50%
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0.50%
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0.50%
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0.50%
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Distribution and service (12b-1) fees . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .
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0.25%
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1.00%
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0.50%
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none
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none
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Other expenses . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .
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0.30%
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0.30%
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0.30%
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0.30%
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0.23%2
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Total annual fund operating expenses . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .
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1.05%
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1.80%
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1.30%
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0.80%
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0.73%
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Fee waivers and expense reimbursements . . . . . . . . . . . . . . . . . . . . . . . . . .
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(0.11%)3
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(0.11%)3
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(0.11%)3
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(0.11%)3
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(0.11%)3
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Total annual fund operating expenses after fee waivers and expensereimbursements . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .
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0.94%
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1.69%
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1.19%
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0.69%
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0.62%
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(if not
redeemed)
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Class
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A
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C
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C
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R
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Inst.
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R6
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1 year .......................................
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$368
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$172
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$272
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$121
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$70
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$63
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3 years ......................................
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$589
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$556
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$556
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$401
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$244
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$222
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5 years ......................................
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$828
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$965
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$965
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$702
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$433
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$395
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10 years .....................................
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$1,513
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$2,107
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$2,107
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$1,558
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$980
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$896
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3.
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Comment: Please confirm that the expense waiver shown in the fee table will remain in place for one year after effective date of the Amendment.
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4.
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Comment: Given that up to 100% of the Fund’s total assets may be allocated to below-investment-grade securities, as described in the Fund’s Prospectus under
“What are the Fund’s principal investment strategies?”, please explain how it is determined that the investment strategy is appropriate for the open-end structure. Please include general market data on the types of investments in which the
Fund invests and information concerning relevant factors listed in Investment Company Liquidity Risk Management Programs, Release Nos. 33-10233; IC-32315 (Oct. 13, 2016), including the factors listed on pages 154-155.
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5.
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Comment: Please clarify how the Fund defines emerging markets under the section of the Prospectus entitled “What are the Fund’s principal investment
strategies?”
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6.
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Comment: Please clarify whether the Fund’s investments are concentrated in any geographic region, country, sector, or industry under the section of the
Prospectus entitled “What are the Fund’s principal investment strategies?”
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7.
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Comment: Please clarify under the section of the Prospectus entitled “What are the Fund’s principal investment strategies?” how the Fund will calculate
derivatives positions for purposes of the Fund’s 80% policy, including whether the derivatives will have characteristics like floating rate loans.
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8.
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Comment: Revise the descriptions of “Loans and other indebtedness risk” to reference the risks related to extended rate settlement. Disclose that leveraged
loans typically have a long settlement period, so it can take a fund a long time to get money after selling the loans. Also disclose how the Fund would cover redemptions during the period.
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9.
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Comment: Please update the returns in the bar chart and average annual total return table.
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10.
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Comment: The S&P/LSTA Leveraged Loan Index is not an adequate broad-based index. Please also add an appropriate broad-based benchmark index to the Fund’s
average annual total return table.
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11.
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Comment: On page 6 of the Fund’s Prospectus under the section entitled “Our principal investment strategies,” move the text in the first bulletpoint to an
introductory paragraph.
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12.
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Comment: In the section of the Prospectus entitled “Our principal investment strategies”, revise the sentence that states that the Fund may invest in loan participations. Per shareholder reports, the Fund invests primarily in loan participations and bank loans so please revise “may” accordingly.
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13.
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Comment: In the section of the Fund’s Prospectus entitled “The securities in which the Fund typically invests,” the majority of the securities disclosed are
fixed rate rather than floating rate. Please consider revising this section to better reflect the Fund’s principal investment strategy. Also please disclose whether the fixed rate securities disclosed in this section are included in the
Fund’s 80% policy. If securities are not principal investment strategies of the Fund, please move them to a section that is labeled as non-principal.
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14.
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Comment: Collateralized mortgage obligations (CMOs) are included on page 8 of the Fund’s Prospectus under the section entitled “The securities in which the
Fund typically invests.” Please discuss whether the Fund invests in lower-rated tranches and if so, disclose heightened related risks.
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15.
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Comment: Under “Bank loans and other indebtedness” in the section of the Fund’s Prospectus entitled “The securities in which the Fund typically invests,”
disclose whether the Fund invests in covenant light loans, and if so, disclose heightened risk.
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16.
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Comment: If payment-in-kind bonds are principal investments for the Fund, please add the following to the related risk disclosure:
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17.
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Comment: In the section entitled “Other investment strategies” and elsewhere in the Fund’s Prospectus, consider moving non-principal investments to the Fund’s
SAI.
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18.
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Comment: Please account for the fact that junk bonds and loans that are included as “Other investments” but also principal investment strategies.
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19.
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Comment: On page 12 of the Fund’s Prospectus, under the section entitled “The risks of investing in the Fund,” tailor the description of Interest rate risk to
focus on floating rate instruments, rather than fixed rate instruments. For example, consider disclosing that floating rate instruments are sensitive to prepayment risk and have greater risk of default.
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20. |
Comment: Please move the second paragraph related to junk bonds under “Credit risk” on page 12 of the Fund’s Prospectus, under the section entitled “The risks
of investing in the Fund,” to instead be included under “High yield (junk bond) risk.”
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21.
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Comment: Address how the Fund intends to meet short term liquidity needs on page 13 of the Fund’s Prospectus, under the section entitled “The risks of
investing in the Fund—Adjustable rate securities risk”.
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